The public needs a free press to show them how this accounting fraud works. Their signature cover is to divide and conquer the family they victimize. They make it appear as if the family destroyed itself fighting over money. Please understand that they intentionally destroy your family to coverup their accounting.

 

Order
Octobr 5, 2012
(I did not see this Order until I received DTA's email dated January 9, 2014. It was attachment "Scan,pdf")


VIRGINIA:
IN THE CIRCUIT COURT OF FAIRFAX COUNTY

JEAN MARY O'CONNELL NADER, Plantiff
v
ANTHONY MINER O'CONNELL,
Individually and in his capacity as
Trustee under a Land Trust Agreement
Dated October 16, 1992 and as
Trustee under the Last Will and
Testament of Harold A. O'Connell, et al.
Defendants.

Case No. 2012-13064
ORDER

THIS CAUSE eame on to be heard upon the motion of the Plaintiff, Jean Mary
O'Connell Nader, by counsel, for a temporary injunction pursuant to Y.A Code § 8.01-620, et seq,; after
notice to the parties; and upon the appearance and argument of counsel for the Plaintiff; and
IT APPEARING TO THE COURT that termination of the Land Trust created by the
parties under an agreement dated October 16, 1992 (the "Land Trust") during the pendency of
this action would cause irreparable harm to Plaintiff; that the likelihood of success by Plaintiff on
the merits and the balance of equities favor of granting the injunction as requested; and, because
the harm to the parties that may result from the granting of the injunction is minimal, the relief
sought by Plaintiff in her motion is reasonable and appropriate; it is therefore
ORDERED that the term of the Land Trust shall not expire on October 16,2012, but will
continue until further Order of this Court; and it is further
ORDERED that Anthony M. O'Connell, as the current trustee under the Land Trust, is
hereby enjoined from transferring or selling the real property held by the Land Trust until further
Order of this Court; and it is further
ORDERED that, under the circumstances, it is unnecessary to require an injunction bond
of the Plaintiff.
ENTERED this 5 day of October, 2012.

(seal) (I assume this is the signature of Chied Judge J Dennis Smith)
JUDGE

I ASK FOR THIS:
BLANKINGSHIP & KEITH, P. C.
4020 University Drive
Suite 300
Fairfax, VA 22030
(703) 691·1235
FAX: (703) 691-3913

By:
Elizabeth Chichester Morrogh
VSB No. 25112
Counsel for Plaintiff